> For the complete documentation index, see [llms.txt](https://docs.madhousewallet.com/llms.txt). Markdown versions of documentation pages are available by appending `.md` to page URLs; this page is available as [Markdown](https://docs.madhousewallet.com/legal-policies/counter-terrorism.md).

# Counter Terrorism

1\. Purpose & Scope

This policy defines the commitment of The Walker Ledger Ltd, a company registered in Kenya and the operator of Madhouse Wallet, to prevent its platform—including investment dashboards, and related services—from being used for money laundering (ML) or terrorist financing (TF).

Scope:

* Applies to all clients (individuals and entities), employees, contractors, affiliates, and agents.
* Covers onboarding, monitoring, transaction review, and ongoing due diligence.
* Addresses compliance with international AML/CFT regulatory frameworks.

2\. Regulatory Compliance Framework

This policy aligns with the following laws and recommendations:

* Financial Action Task Force (FATF) Recommendations
* European Union Anti-Money Laundering Directives (AMLD 5 & 6)
* U.K. Money Laundering Regulations (MLR)
* UN Security Council Resolutions related to terrorist financing
* Applicable authorities based on geographic operations

3\. Key Definitions

* Money Laundering (ML): Concealment of the origins of illegally obtained money.
* Terrorist Financing (TF): Collection or provision of funds with the intention of supporting terrorist acts or organizations, regardless of whether funds are derived from a lawful or unlawful source.
* Counter-Financing of Terrorism (CFT): Policies and controls aimed at identifying, preventing, and reporting activities related to terrorism financing.
* Sanctioned Entity/Person: Individuals or organizations listed by national or international bodies as being involved in terrorism or other illicit activity.
* Politically Exposed Person (PEP): Someone with a prominent public role, including their family members and close associates.

4\. CFT-Specific Obligations

4.1 Risk Identification

* Transactions or relationships involving jurisdictions with documented terrorist activity, FATF black/gray-listing, or international conflict zones are flagged.
* Transactions with no clear economic rationale, or involving frequent cross-border movements, especially to/from high-risk jurisdictions, are treated as high-risk.

4.2 Customer Due Diligence (CDD)

* CDD measures include checking customers and UBOs against:
* * UN 1267/1989 Sanctions List
  * EU Consolidated Sanctions List
  * Interpol watch lists
* Customers must disclose any affiliation with religious, political, or humanitarian entities subject to international sanctions.

4.3 Enhanced Due Diligence (EDD)

* Required when:
* * The customer is from or transacts with a high-risk jurisdiction
  * A customer or UBO is on a sanctions or terrorist list
  * Inconsistencies arise in customer profile vs transaction behavior

EDD includes:

* Source of funds/wealth checks
* Directorial or UBO background checks
* Transaction activity monitoring with velocity and volume tracking
* Senior management approval prior to onboarding or continuation

4.4 Sanctions Screening & Monitoring

* Daily updated automated screening of all customers and counterparties
* Transaction monitoring algorithms specifically trained to detect:
* * Layering techniques
  * Use of informal remittance systems (e.g., hawala)
  * Transfers to/from conflict zones or sanctioned countries

5\. Governance & Reporting

5.1 Internal Oversight

* A Designated CFT Compliance Officer shall be appointed to:
* * Oversee implementation of CFT controls
  * Liaise with relevant authorities (e.g., FIU-IND)
  * Conduct annual risk-based CFT assessments
* The Principal Officer retains overall responsibility for SARs, CFT policy updates, and compliance certification.

5.2 Suspicious Activity Reporting (SAR)

* CFT-related SARs must be filed within 7 working days of suspicion.
* SARs may include:
* * Use of funds by a person linked to a terrorist group
  * Multiple small transactions meant to avoid detection
  * Fund transfers with no legitimate business or personal rationale
* Tipping off (informing the customer of the investigation) is strictly prohibited.

6\. Record-Keeping & Audit Trails

* All CFT-related data, including:
* * Identification details
  * Transaction logs
  * Investigative notes
  * Sanctions checks\
    will be preserved for a minimum of 5 years.
* Audit logs are encrypted and accessible only to Compliance and designated officers.

7\. Training & Awareness

* All staff undergo CFT training annually, including:
* * Terrorist financing typologies
  * Red flags and escalation procedures
  * Legal obligations and reporting framework
* Frontline and risk personnel receive scenario-based workshops on CFT trends.

8\. Policy Review and Updates

* This policy is reviewed at least annually, or immediately following:
* * Updates from FATF or the UN
  * Change in business model
  * Red flag incidents or internal investigations

9\. Red Flags for Terrorist Financing

<table data-header-hidden><thead><tr><th valign="top"></th><th valign="top"></th></tr></thead><tbody><tr><td valign="top">Red Flag Category</td><td valign="top">Examples</td></tr><tr><td valign="top">Geographic</td><td valign="top">Transfers to conflict zones or sanctioned states (e.g. Syria, North Korea)</td></tr><tr><td valign="top">Behavioral</td><td valign="top">Refusal to provide source of funds; attempts to obscure ownership</td></tr><tr><td valign="top">Transactional</td><td valign="top">Donations to unverifiable NGOs; inconsistent with customer’s known profile</td></tr><tr><td valign="top">Structural</td><td valign="top">Frequent use of third parties; high volume of small transactions under thresholds</td></tr></tbody></table>

10\. Commitment to Global Financial Integrity

Madhouse Wallet acknowledges the global threat of terrorism and pledges to be part of the financial community’s effort to stop terrorist financing. This CFT-integrated KYC/AML policy supports our belief that financial transparency and vigilance are non-negotiable in safeguarding global peace and ethical innovation in finance.
